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Partnership Taxation Operating Distributions

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Treat distributed properties as if a Sec. ... Step One - Classify the partnership assets into Sec. ... those assets deemed 'sold' using the general rules of sec. ... – PowerPoint PPT presentation

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Title: Partnership Taxation Operating Distributions


1
Partnership TaxationOperating Distributions

2
Sec. 731 - Distributions
Liquidating
Current
Proportionate
Proportionate
Disproportionate
Disproportionate
3
Section 731
  • Sec. 731(a)
  • Gain - only to extent that gt Adj.Basis
  • Loss - only on liquidating distributions
  • only items , URR, Invent.
  • Sec. 731(b)
  • No gain or loss for the partnership
  • Sec. 731(c) Exceptions
  • Payments to Retiring Partners (Sec. 736)
  • Disproportionate Distributions (Sec. 751(b))
  • Distributions of Marketable Securities

4
Distributions of Cash
  • Reduce basis
  • Return of capital concept
  • Distribution in excess of basis gain
  • Treat reduction of liabilities as a cash
    distribution on the last day of the year
  • Tread a draw against income as a distribution
    on the last day of the year

5
Non LiquidatingDistributions of Property
  • General rule -- Carryover basis
  • Cant exceed outside basis
  • Multiple properties distributed
  • 1st. URR inventory items
  • 2nd. Other Properties
  • Pre 1997 Act Allocate basis on relative
    adjusted basis
  • Post 1997 Act Allocate basis on relative
    depreciation first

6
Post 1997 ActBasis Allocation - S. 732(c)
  • If a decrease in basis is required
  • First, to assets with unrealized depreciation in
    proportion to the unrealized depreciation (up to
    its unrealized depreciation)
  • If some unallocated basis still remains, allocate
    remainder in proportion to the assets adjusted
    basis

7
Example
Partnership Distributes Land (FMV 15 Adj.
Basis 15) Building (FMV 5 Adj. Basis
15) Partners outside basis 20
8
Distributions of Marketable Securities
  • General Rule - treat as cash
  • Exceptions
  • Investment partnership distributes marketable
    securities to a partner who contributed no
    property other than cash or marketable
    securities
  • Distribution of a marketable security to a
    partner who contributed the security
  • The distributed security was not a marketable
    security when acquired by the partnership
  • Reduce distribution by distributees share of
    the net gain in the in partnerships marketable
    securities (before and after computation)

9
Marketable Securities
  • Financial instruments convertible to money or
    marketable securities
  • Foreign currencies
  • Must be actively traded

10
Sec. 732(d) Election
  • Treat distributed properties as if a Sec. 754
    election is in effect when distributee purchased
    his/her interest (Assets distributed to new
    partner eligible for Sec. 743(b) adjustment)
  • Available only if
  • Distributions made w/i 2 years of distributees
    partnership interest acquisition
  • No Sec. 754 election in effect
  • Distributee partners election
  • IRS may require this adjustment
  • If FMV of partnership assets gt 110 of adj. basis
    at acquisition and a shift in basis from
    non-depreciable assets to depreciable would occur

p277
11
Sec. 735 - Character of Gain or Loss on
Disposition of Distributed Property
Character - Subsequent Sale (or holding
period)
Type of Asset
Ordinary gain or loss
1. Unrealized Receivables
2. Inventory Items (A)
Sold within 5 years
Ordinary gain or loss
Character of asset in hands of distributee
partner determines character of gain or loss
(B) Sold after 5 years
3. Non-Section 751 Assets
Distributee partners holding period includes
partnerships holding period
280
12
Distributions Partnership Consequences
  • No gain or loss recognized - Sec. 731
  • No effect on inside basis - Sec. 734(a)
  • May cause possible distortion
  • Relief - Sec. 754 election
  • Sec. 734(b) Amount of adjustment
  • Sec. 755 - Governs adjustment allocation

13
Sec. 743(b) - Adjustments
Direction of Adjustment
Effect on Distributee

Gain
Increase Basis
Loss
Decrease Basis
Lost Basis
Increase Basis
Decrease Basis
Found Basis
14
Sec. 704(b) Capital Account Adjustments
  • Reduce capital account by cash and FMV of
    property distributed
  • Adjust capital accounts of all partners by their
    share of gain or loss as if the property had
    been sold for its FMV on date of distribution

P
15
Mixing Bowl TransactionsAbuse Fighters ---
Sec. 704(c)(1)(B) 737
  • 704(1)(B) Distributions of Contributed
    Property to Another Partner

B
A
Partnership
Property contributed by A and distributed to B
(w/i 7 years) --- 1 A recognizes the BIG/L as
if the property had been sold for its FMV at
time of distribution 2 Character of G/L is the
same as if the partnership had sold the
contributed property to B 3 As O/S basis is
increased/decreased by the G/L 4 Partnerships
basis in the property in increased prior to
distribution (FMV)
16
Exceptions to Sec. 704(c)(1)(B)
  • The contributed property is distributed back to
    the contributing partner
  • Contributing partner receives a distribution of
    like-kind property (1031) w/i 180 days after
    the distribution
  • Treat the contributing partner as if he received
    the same property (up to the FMV of the like-kind
    property actually received.

17
Sec. 737 - Distributions of Other Property to the
Contributing partner
A
Partnership
x
y
  • A must recognize a gain if he receives property
  • (other than money) as a distribution (w/i 7
    years)
  • ---- only applies to appreciated property
  • Amount of the gain Lesser of
  • 1. FMV of the distributed property just before
    the
  • distribution less outside basis prior to
    distribution
  • 2. Net pre-contribution gain of A
  • Character of the gain determined by contributed
    property
  • Adj. basis -A increased O/S basis by gain
  • Decrease O/S basis by the distribution.
  • Partnership increases basis of X
    by gain

18

Sec. 704(c)(1)(B) Distribution of Contributed
Property to another partner
w/i 7 years
B
Partnership
Treat as if a sale at the time of distribution
Sec. 737 -- Dist. of other property to
contributing partner w/i 7 yrs.
x
y
Partnership
Gain Lesser of (1) FMV of property
less O/S basis (2) Net BIG (only applies to
appreciated property)
P
19
Phantom Gains
20
Disproportionate Distributions Sec. 751(b)
  • A distribution that alters a partners interest
    in Sec. 751(b) property
  • Applies to current and liquidating distributions
  • Treats disproportionate distribution of assets as
    a sale or exchange between the partnership and
    the distributee
  • Sec. 731 controls the portion not covered by Sec.
    751(b)

21
Mechanics of Sec. 751(b)
  • Step One - Classify the partnership assets into
    Sec. 751 assets (URR Substantially Appreciated
    Inventory)
  • Step Two - Assign gross values to
  • 1 Distributee partners interest in each asset
    before the distribution
  • 2 Distributee partners interest in each asset
    after the distribution
  • 3 The actual property which was distributed

22
Step 3 (Mechanics of Sec. 751(b))
  • Determine the amount of any increase or
    decrease in the distributees share of the two
    classes of assets.
  • (Compare the distributees interest in each
    asset before the distribution with the sum of his
    interest after the distribution plus the actual
    property distributed)

23
Step 4 (Mechanics of Sec. 751(b))
  • Determine which assets have been deemed sold
    or purchased in the sec. 751(b) exchange.
  • Assign basis to those assets deemed sold
    using the general rules of sec. 732.

24
Step 5 (Mechanics of Sec. 751(b))
  • Determine tax consequences of sec. 751(b)
    exchange. Gain or loss is computed for
    distributee and partnership on assets sold
  • Character of gain/loss determined by character
    of assets exchanged for the property sold
  • Basis of the purchased assets will be their
    cost
  • Basis of any property not involved in the sec.
    751(b) exchange is determined under the general
    rules of sec. 731 732

25
Problem 2, page 299
1/3
Cash
12,000
Land
12,000
Total
24,000
8,000
19,000
Inventory
12,000
8,000
Received 8,000 in phantom dist.
Phantom dist. 8,000 of inventory to A with a
0 basis sold it back for 8,000
gain Partnership - Purchased the inventory for
8,000
Beg. Basis 18,000 751 gain 8,000 741
gain 1,000 27,000 -
Dist. (27,000) 0
26
Dist. (27,000) Purch. 8,000 --751(b)
Cash Inventory Land
A B C
27
The End
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